When it comes to U.S. real estate transactions, the Foreign Investment in Real Property Tax Act (FIRPTA) often raises questions—especially for those unsure about their classification as a foreign person. One of the most common areas of confusion involves domestic LLCs. Does FIRPTA apply if you’re selling through a U.S.-based LLC? Let’s break down the key concepts and clarify the rules.
Who Is Considered a Foreign Person?
Under FIRPTA, a foreign person is anyone who is not classified as a U.S. person for tax purposes. According to IRS guidelines, U.S. persons include:
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U.S. citizens and resident aliens,
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Domestic corporations and partnerships,
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Domestic trusts and estates that are subject to U.S. tax laws.
In contrast, foreign persons include:
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Nonresident aliens,
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Foreign corporations,
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Foreign partnerships,
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Foreign trusts and estates.
This classification is critical—because if you’re considered a foreign person, FIRPTA withholding may apply to your U.S. real estate sale.
Domestic LLCs: Are They Always U.S. Persons?
A domestic Limited Liability Company (LLC) is formed under U.S. state law (such as Florida). But for tax purposes, whether it’s considered a U.S. person depends on its tax classification:
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If the LLC elects to be taxed as a corporation or is treated as a partnership, then it is considered a U.S. person—even if the owners are foreign individuals.
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However, if the LLC is a single-member LLC (SMLLC) and does not elect to be taxed as a corporation, it is treated as a disregarded entity. In this case, the IRS “looks through” the LLC to determine the tax status of the owner.
Disregarded Entities and FIRPTA: The Important Exception
If the owner of a disregarded LLC is a foreign person, then FIRPTA withholding may still apply—even though the LLC is organized in the U.S.
Example Scenarios:
Scenario A: A Florida-based LLC that files its own tax return (e.g., Form 1120 or 1065) is treated as a U.S. person. If the LLC sells a property, FIRPTA withholding generally does not apply.
Scenario B: A Florida-based single-member LLC is treated as a disregarded entity. Its sole owner is a nonresident alien. In this case, the IRS considers the owner’s foreign status, and FIRPTA withholding will likely apply to the sale.
Why This Distinction Matters
Understanding how your LLC is treated for tax purposes is crucial:
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Tax Compliance: Misclassification can result in unnecessary withholding or worse, noncompliance with IRS rules.
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Financial Planning: Knowing your FIRPTA exposure helps you plan for potential cash flow interruptions at closing.
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Strategic Structuring: Choosing the right entity type can minimize tax obligations and streamline your sale.
How to Determine Your Tax Status
If you're unsure whether FIRPTA applies to your transaction, take these steps:
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Review Your LLC’s Tax Classification
Check how your LLC is treated for tax purposes. If it’s a disregarded entity, the owner's status controls. Tax returns like Form 1120 (corporation) or Form 1065 (partnership) suggest it's treated as a U.S. person. -
Consult a Tax Professional
FIRPTA rules are complex. Working with a knowledgeable CPA can help you avoid over-withholding or IRS penalties. -
Understand IRS Definitions
Familiarize yourself with how the IRS distinguishes between U.S. and foreign persons. Resources like the IRS website or official tax publications are a great place to start.
Final Thoughts
Selling U.S. property as a foreign person—or through an LLC owned by one—can trigger FIRPTA withholding. But understanding how your LLC is treated for tax purposes can make all the difference.
Whether you're filing directly or through an entity, the key is clarity. By determining your classification early and consulting the right professionals, you can avoid unexpected tax issues and ensure a smoother transaction.
Need Help? Our Florida-based team specializes in FIRPTA consulting. If you’re unsure about your status or whether FIRPTA applies, contact us for a free consultation. We’ll guide you through every step of the process and help you make informed decisions to protect your investment.





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